Tax exemption may be key to move of Keurig's coffee buying to Switzerland

By Luc Cohen

NEW YORK, Sept 8 (Reuters) - When Keurig Green Mountain Inc said last December it was shifting its coffee buying operation to Lausanne in Switzerland from its headquarters in Waterbury, Vermont, it said the move would establish the company as a "global beverage player."

The seller of brewing machines and single-serve coffee pods said nothing about a little-known exemption in the U.S. tax code that for many years has benefited Starbucks Corp and other U.S. companies who trade in some commodities.

In internal presentations, Keurig said the move was aimed at expanding into the European market and gaining access to Switzerland's talent pool of coffee traders, one source familiar with the transition told Reuters. But as the move took shape it became clear that tax savings were a key part of the plan, this person said.

Accountants and professors specializing in taxation told Reuters that Keurig is positioned to benefit from the 1970s-era exemption for commodities trading. By moving coffee buying, Keurig can also shift some income to Lausanne, where the tax rate is less than 10 percent. In Vermont, it faces a U.S. federal corporate income tax rate of up to 35 percent, and a state tax rate of up to 8.5 percent.

Keurig's new Swiss operation will be able to record profits by purchasing green coffee beans at one price, and selling them at a markup to the North American businesses that roast the coffee and sell it to consumers, the source said. This effectively shifts profits from the U.S. parent company to the Swiss entity in an entirely legal maneuver.

"The fact that Keurig is doing this is pretty clearly due to a loophole in the law that doesn't make a whole lot of sense," said Matt Gardner, executive director of the Institute on Taxation and Economic Policy, a nonpartisan Washington, D.C. think tank.

A Keurig spokeswoman declined to comment in response to a list of questions emailed by Reuters. When Reuters first reported the shift to Switzerland last December, the company declined to predict how its tax bill would be affected. Its overall effective tax rate in the fiscal year to September 2014 was 35.4 percent.

The U.S. tax code normally prohibits this type of activity, requiring foreign subsidiaries that act as buying agents for U.S.-based parents to send profits back to the United States to be taxed.

But in 1975, Congress added an exemption, allowing offshore subsidiaries to keep profits abroad if they came from the trade of four commodities: black pepper, cocoa, coconut and tea. Coffee, bananas and crude rubber were added in 1978. [For history of the exemption, see factbox: ID:nL1N11D0WC]